Effective date: September 29, 2026
Last updated: September 29, 2026
This Age Eligibility and Protection of Minors Policy (this “Policy”) is issued by Lomli's operator, HYPERGAME TECHNOLOGY LIMITED (place of incorporation: Hong Kong, China). Its registered address, for which the original English version prevails, is UNIT B604W ON 6/F., BLK B, CHUNG MEI CENTRE, 15 HING YIP STREET, KWUN TONG HONG KONG (the Chinese rendering of this address is for reference only; the English registered address prevails). The operator also acts as the Lomli service provider, your contracting party, the charging entity and the controller of personal information (“we” or “us”). This Policy applies to Lomli's applications, websites and related products, features and services (collectively, the “Services”).
Lomli is an artificial intelligence companionship service for adults. It may include emotional companionship, character interactions, user-generated content and other features or content unsuitable for minors. Preventing minors from accessing the Services is an important part of our product safety, privacy protection and platform governance.
Important: Lomli is available only to users who are at least 18 years old. Anyone under 18 must not create an account, access or use the Services. Consent, supervision or authorization from a parent, guardian, school or other adult cannot replace this age requirement and does not create an exception.
This Policy explains our age threshold, age-assurance measures, handling of minors' accounts and data, and mechanisms for reporting, human review and appeals. Read it together with the Lomli Terms of Service and Lomli Privacy Policy. For the processing of personal information, the Lomli Privacy Policy and mandatory provisions of applicable law prevail.
1. Scope and Terminology
1.1 Scope
This Policy applies to:
- Everyone who accesses, registers for or uses the Lomli Services;
- Age-assurance activities we conduct during registration, sign-in, ongoing use, risk reviews, customer support, report handling and appeals;
- Technical, human and governance measures we take to prevent minors from accessing the Services or circumventing the age threshold.
This Policy does not mean that the Services are available in every country or region. Users must also meet other eligibility requirements under local law. If local law requires a higher minimum age or prohibits the relevant Services, those requirements prevail.
1.2 Consistent Terminology
In this Policy and the related Lomli Privacy Policy and Lomli Terms of Service, the following terms have these meanings:
- Age assurance: The overarching governance framework for determining whether users meet the minimum age requirement and continuously managing risks of incorrect decisions, circumvention and noncompliance. It includes age declarations, age estimation, age verification, human review and related technical and organizational measures. Age assurance is not a single check.
- Age declaration: A method by which users state their date of birth or age range, or confirm whether they are at least 18 years old.
- Age estimation: A method of inferring a person's likely age or age range from age-related information, signals or models. Age estimation generally produces probabilistic results and is not automatically equivalent to identity confirmation or age verification.
- Age verification: The process of confirming whether someone meets the required age threshold using materials with evidential value, trusted data sources, third-party services or other methods.
- Human review: An assessment by authorized personnel of age-assurance results, relevant risk signals, users' additional explanations or alternative evidence, to decide whether to uphold, change or withdraw an earlier measure.
These definitions describe types of measures that may be used; they do not mean that we currently use all of them. The measures actually enabled, their triggers and product workflows depend on relevant interface notices and matters identified in this Policy as awaiting confirmation.
2. A Uniform Global Minimum Age of 18
2.1 Basic Eligibility
You must meet all of the following conditions to use the Services:
- Be at least 18 years old;
- Have the capacity to enter into a legally binding agreement;
- Not be prohibited by applicable law from receiving or using the Services;
- Truthfully complete the required age declaration or other applicable age-assurance process.
2.2 No Parental-Consent Exception
Anyone under 18 must not use the Services, even with the consent, supervision or authorization of a parent, guardian, school or other adult. No adult may register an account for a minor, share an account with a minor or help a minor circumvent the age threshold.
2.3 Accurate Information and No Circumvention
You must provide truthful, accurate, complete and current age-related information. You must not:
- Enter a false date of birth or falsely declare that you are an adult;
- Use someone else's information to complete age assurance;
- Alter, forge or improperly submit verification materials;
- Use technical tools or other means to bypass, interfere with or test age-assurance measures;
- Lend, transfer or share a Lomli account with a minor;
- Instruct, encourage or help anyone else to circumvent the age threshold.
Violations may result in restricted features, an account freeze, suspension, termination or other measures, in accordance with the Lomli Terms of Service and applicable law.
3. How We Conduct Age Assurance
3.1 Basic Principles
Age assurance is an ongoing governance process proportionate to risk. In selecting and implementing age-assurance measures, we consider child safety, privacy impact, accuracy, accessibility, the risk of incorrect decisions, resistance to circumvention and applicable law. We follow these principles:
- Proportionate to risk: The strength of measures should match the specific risks to minors, feature risks and legal requirements;
- Less intrusive: Among options that provide reasonable protection, prefer those with less impact on privacy and user rights;
- Minimum necessary: Collect and process only the information necessary for age decisions, security, appeals and legal obligations;
- Tiered responses: Do not automatically make a permanent adverse decision based on a single low-confidence signal, and provide human review or alternative evidence options where appropriate;
- Ongoing assessment: Review and adjust measures in light of incorrect decisions, circumvention, supplier performance, legal changes and safety risks.
3.2 Age Declaration: The Age-Assurance Method Currently Used
At registration, we ask you to provide your date of birth or confirm that you are at least 18. Age declaration is currently the only age-assurance method we use, and it takes place only once, at registration.
If you declare that you are under 18, we will refuse registration or block access to the Services and handle the relevant account and data under Section 7 of this Policy.
The age-declaration requirement applies to every sign-in and access path: whether you sign in with Apple or Google, register by email or enter in Guest mode, you must complete an age declaration and confirm that you are at least 18 before first using any AI interaction feature. No sign-in method exempts you from, lowers or simplifies this requirement.
The Services also offer Guest mode. Guest access is subject to the same minimum age of 18: guests may browse character or content overviews, but before starting a chat, voice interaction or any other AI interaction, they must complete an age declaration confirming that they are at least 18. Anyone who has not completed the declaration or declares that they are under 18 must not use those interaction features.
To prevent minors from encountering adult-oriented companionship content, the age declaration is a mandatory step before interaction in the Guest flow. It must not be skipped, bypassed or repeatedly circumvented by clearing application data or other means.
For age assurance, we currently do not require images of identity documents, passports or other documents; do not require selfies, video or liveness checks; do not create voiceprint or facial-feature templates for age decisions; and do not engage third-party age-verification services or use automated age-estimation technology. Accordingly, we do not currently collect or process biometric information for age verification.
We do not create voiceprint templates, recognize voiceprints or uniquely identify people by voiceprint. Arrangements for using audio and transcribed text from voice interactions for model training are described in Section 7 of the Lomli Privacy Policy.
If changes in applicable law or regulatory requirements in launch or target markets require us to adjust our age-assurance methods, we will update this Policy and the Lomli Privacy Policy in advance, provide legally required notice and obtain additional consent where necessary before enabling those methods.
3.3 Risk Levels and Possible Measures
Although we currently use only age declarations, we also consider risk signals to identify possible use by minors or circumvention of age requirements. Factors may include:
- Clear inconsistencies between registration information, account information and user statements;
- Information voluntarily disclosed by a user indicating that they may be under 18;
- Credible reports, support records or safety reviews suggesting risks involving minors;
- Sign-in, device, transaction or usage behavior clearly inconsistent with the age declaration;
- Attempts to bypass the age threshold or register repeatedly;
- Features, content or regions with elevated risks involving minors or stricter legal requirements;
- Other reasonably credible signals directly relevant to preventing use by minors.
Under the current design, which uses only age declarations, we may take one or more of the following measures according to the level of risk:
- Ask you to make a new age declaration or provide an additional explanation;
- Temporarily restrict some or all features;
- Arrange a review by authorized personnel;
- Refuse registration or freeze, suspend or terminate account access.
At this stage, we do not use age estimation or third-party age verification as an enforcement measure. If risk signals cannot reasonably be resolved through a new declaration or communication with a human reviewer, we may restrict or terminate account access. Such action is solely to protect minors and should follow necessity and proportionality principles.
Risk signals support decisions; without appropriate assessment, they should not be treated as conclusive determinations of someone's age. For decisions with significant effects, such as freezing an account, imposing long-term restrictions or terminating access, we will provide the human-review or alternative-evidence options described in Section 6 where required by law or reasonably practicable.
3.4 Third-Party Age Verification and Raw Materials: Not Currently Enabled
Lomli has not engaged any third party to conduct age estimation or age verification and does not collect or process identity-document images, selfies, video, facial-feature templates, voiceprints or other raw biometric materials for age determination.
If we consider such measures in a particular market because of legal requirements or risk-management needs, we will first complete legal, privacy, necessity and proportionality assessments and address the following matters. Only then will we update this Policy, give advance notice and obtain separate consent where necessary:
- Define the categories of data received by Lomli, third-party age-assurance suppliers and other recipients, as well as data flows, processing locations and subcontracting arrangements;
- Specify who is responsible for storing documents, selfies, video, biometric templates and verification results, together with retention periods, when those periods begin and deletion mechanisms;
- Specify whether those data will be used for model training, model improvement, product improvement, fraud detection or other secondary purposes, and the corresponding legal bases and choices.
3.5 Processing and Data Flows for Age Declarations
Under the current design, which uses only age declarations, we process only information necessary for access to the Services, such as date of birth or an age-confirmation result, and necessary safety records created when identifying or responding to age-circumvention risks.
We do not collect identity documents, selfies, video or raw biometric data through age declarations.
4. Privacy and Data Governance in Age Assurance
4.1 Processing Purposes and Limits on Incompatible Uses
We may process necessary age-related information only to enforce the minimum age of 18, prevent and investigate circumvention, protect the Services, handle reviews or appeals, meet legal obligations, and for other compatible purposes following any compatibility assessment required by law.
Age-related information must not be used for purposes incompatible with its collection. In particular, someone's date of birth, age-confirmation result or related safety records should not be used for unrelated advertising targeting, marketing profiles, inference of sensitive characteristics or other analysis incompatible with age assurance merely because they completed an age declaration or age-assurance process. If identity documents, selfies or other biometric materials are introduced in the future, the same restrictions apply. Before pursuing a new processing purpose, we should assess compatibility as required by law and, where necessary, provide further notice, obtain valid consent or stop that processing.
4.2 Data Protection Principles
We follow these principles in age assurance:
- Purpose limitation: Limit processing to the stated, lawful purposes of age assurance, safety, appeals and legal obligations;
- Data minimization: Collect and process only what is necessary for age decisions, security, appeals and legal obligations; under the current design, do not collect identity documents, selfies or other raw biometric materials;
- Access restrictions: Permit access only to authorized personnel, suppliers or subcontractors with a genuine work-related need;
- Storage limitation: Retain each category only until the period necessary for its purpose, dispute handling, safety auditing or legal obligations ends;
- Security: Apply technical and organizational measures appropriate to the data's sensitivity and risks to reduce unauthorized access, disclosure, alteration, loss or misuse;
- Transparency and accountability: Explain the data categories, purposes, legal bases, recipients, retention periods or criteria, and available rights before or at collection, and maintain necessary assessment and governance records.
4.3 Assessment of Biometric and Sensitive Information
Because current age assurance consists only of a one-time declaration at registration and does not involve facial analysis, voiceprints, liveness checks, identity documents or biometric templates, the age-assurance activities described in this Policy do not currently constitute biometric-information processing.
If we plan to introduce age-assurance measures involving those methods or other information classified as sensitive personal information or special-category personal data under applicable law, we will conduct applicable data protection or privacy impact assessments (DPIAs/PIAs) based on local law and actual risks before enabling them in the relevant regions, and assess necessity and proportionality.
The assessment should at least consider less intrusive feasible alternatives; accuracy and bias; consequences of incorrect decisions; risks to children and vulnerable groups; suppliers and cross-border data flows; retention and deletion; security measures; and human-review or alternative-evidence arrangements. Where required by law, we will also consult regulators, obtain valid consent or provide additional rights and choices.
4.4 Relationship with the Lomli Privacy Policy
The specific categories, sources, purposes, legal bases, recipients, international transfers, retention, security, automated decisions and rights concerning age-related personal information are governed by the Lomli Privacy Policy and layered notices in age-assurance interfaces. If actual product processes change, we should update this Policy, the Lomli Privacy Policy and the relevant interfaces together to avoid inconsistent terminology or facts.
5. Measures When Age Assurance Is Not Passed
If a user declares that they are under 18, fails to complete required age assurance, receives a result showing ineligibility, or presents a reasonable unresolved risk of being a minor, we may take the following measures according to risk and applicable law:
- Refuse account creation;
- Block sign-in or access to the Services;
- Temporarily freeze the account or restrict particular features;
- Request further information through the human-review or alternative-evidence routes in Section 6;
- Suspend or terminate the account and delete, de-identify or isolate related data;
- Handle refunds or cancellations relating to unused subscription periods, virtual entitlements or other paid items as required by law;
- Retain limited anti-circumvention records where lawful and genuinely necessary to prevent repeated registration, circumvention, fraud or abuse;
- Take other measures permitted by the Lomli Terms of Service or applicable law.
Measures should be proportionate to the risk and should, as far as possible, avoid requiring more information than necessary to determine age. An age-based account restriction does not automatically exclude rights to refunds, withdrawal, cancellation or other non-waivable rights under applicable consumer law or purchase-channel rules.
Where there are risks to child safety, fraud, unlawful content or other serious risks, we may report them to relevant platforms, law enforcement, regulators or child-protection bodies to the extent permitted or required by law.
6. Human Review, Alternative Evidence and Appeals for Incorrect Decisions
6.1 When You May Request Review
You may request human review or appeal if you believe an age declaration, age estimate, age verification or other risk signal led to an incorrect decision, or if your account was restricted, frozen, suspended or terminated because of age.
Where reasonably practicable without weakening safety measures, we may offer one or more alternative-evidence routes so that users do not have to repeat the same potentially inaccurate method. Alternatives may differ by region, risk and available technology, but should still follow proportionality, low-intrusion and data-minimization principles.
6.2 Information Needed for a Request
To help us handle a request, it should normally include:
- The Lomli account identifier or contact details associated with the account;
- An explanation of the relevant decision, notice or error message;
- Reasons why you believe the decision is incorrect;
- Additional information necessary to establish whether you meet the minimum age of 18.
Do not send documents, selfies, biometric data or other sensitive information unrelated to the review without being asked. We should explain acceptable forms of information through official channels and describe the applicable data-processing rules.
6.3 Handling Principles
Subject to applicable law and confirmed operational procedures, we will:
- Reassess the original decision, age-assurance result and relevant risk signals;
- Where reasonably practicable, use personnel who did not directly make the original decision or a process with suitable independence;
- Request only information proportionate to age confirmation, fraud prevention and appeal handling;
- Inform the applicant that the request has been accepted, what further information is needed and the review outcome;
- If the appeal succeeds, restore the relevant access for an eligible user and correct inaccurate records;
- If the appeal is denied, explain the main reasons, while withholding information that would materially weaken safety measures or help circumvention where appropriate;
- Apply access controls and retention periods to review materials.
Until the review is complete, we may continue account restrictions proportionate to the risk. We may combine or decline to reconsider repeated requests about the same matter that provide no new information, but must not limit appeal or remedy rights granted by applicable law.
7. Handling Minors' Accounts or Data When Discovered
7.1 Account Measures
If we confirm or have sufficient grounds to determine that a user is under 18, we will stop providing the Services to them and, as appropriate, refuse registration, restrict access, freeze, suspend or terminate the account. No measure changes the “no parental-consent exception” principle in Section 2.2.
Automation boundary (confirmed): Automated systems or review workflows may directly impose temporary restrictions such as freezing or suspension, but a final decision to terminate an account must be confirmed by a human and does not take effect automatically. See Section 20 of the Lomli Privacy Policy and Section 11.1 of the Lomli Terms of Service.
7.2 Data Deletion and Limited Retention
When we confirm that personal information came from someone under 18, we will delete, de-identify or restrict processing of it in accordance with applicable law, effective deletion procedures and the relevant legal basis. Limited exceptions may require retention to:
- Fulfill legal obligations, assist lawful investigations or handle legal disputes;
- Protect the safety and lawful rights of users, the public or Lomli;
- Prevent repeated registrations, circumvention of the age threshold, fraud or abuse by the same person;
- Retain data that have lawfully been irreversibly de-identified or aggregated and cannot reasonably be linked to a specific individual;
- Address other circumstances permitted or required by applicable law.
Any exception must be limited to the minimum fields needed for a defined purpose, with tiered access and use restrictions. Data must be deleted or irreversibly de-identified when the purpose ceases or the period expires. Backup data that cannot be deleted immediately should be isolated according to secure rotation cycles and prevented from re-entering routine business use.
Special note on model training: Under Section 7 of the Lomli Privacy Policy, chat, images, voice, memories and feedback are used to train Lomli's own models, and all users are offered an opt-out mechanism (see Section 7 of the Lomli Privacy Policy). This means that, before a minor's account is identified and deleted, content produced during its use may already have entered the training process, and a deletion request cannot remove its influence from already completed model parameters.
Confirmed general retention framework (also applicable to data involving minors): Accounts and profiles are deleted immediately after account deletion; characters, preferences and long-term memories are deleted immediately (in near real time) after user deletion; chat history, AI-generated content, images and voice files remain in active systems for no more than 30 days after user deletion, solely for deletion execution, cross-system synchronization and safety auditing; safety review, reporting, abuse and customer-support records are retained for 3 years after case or ticket closure; device data and logs are retained for 24 months; backups are overwritten on a rolling 180-day cycle.
Application to minors: As the deletion grace period for generated content has been reduced to 30 days, minors' data are subject to the same deletion timetable as adult users' data; there is no issue of minors' content being retained for a prolonged period.
7.3 Notices from Parents, Guardians or Others
A parent, guardian or other person who reasonably believes that a minor has provided personal information to Lomli may contact us through the channels in Section 11. To prevent fraud and unauthorized disclosure, we may ask for enough information to locate the account, establish the facts or verify the requester's authority, but should not require more than necessary to handle the request.
We will investigate credible notices and take appropriate action. Whether and how we disclose the outcome to the requester depends on identity and authority checks, the minor's safety and privacy, account security and applicable law. Submitting a report does not automatically grant access to an account or personal information.
8. Reporting Use by Minors or Assistance with Circumvention
Any user or third party may report:
- Suspected use of Lomli by a minor;
- An adult registering for or providing an account to a minor;
- Use of false information or other means to circumvent age assurance;
- Someone inducing minors to encounter age-inappropriate content or interactions on Lomli;
- Other urgent or serious risks to minors' safety.
You may report through the in-app reporting form or by email to lomli-service@outlook.com. For urgent or serious risks to minors, clearly include “Minor Safety” in the subject so that we can prioritize the report.
Provide enough information to locate the account and assess the risk, such as an account identifier, relevant facts, time of the incident and necessary evidence. Avoid including sensitive personal information unrelated to the report.
We will review reports based on credibility, risk and available information, and may impose temporary restrictions, request further age assurance, preserve content, take account measures or apply other protections. We will not disregard credible child-safety risks merely because evidence is incomplete, nor make permanent adverse decisions solely on malicious or clearly unfounded reports.
9. Safety Enforcement, Automated Decisions and Cooperation with Authorities
We may lawfully combine automated tools and human review to identify violations of this Policy. Age-related automated decisions should undergo assessments of accuracy, fairness, bias and error appropriate to their risks. Where a decision significantly affects a user, we will provide human intervention, explanations, alternative evidence or appeal opportunities in accordance with applicable law and Section 6.
Where permitted or required by law, we may:
- Preserve the minimum records necessary for an investigation;
- Share the minimum necessary information with providers of safety, age assurance, hosting, support, payment or legal services;
- Respond to binding court orders, subpoenas, regulatory requirements or law-enforcement requests;
- Disclose necessary information to appropriate bodies where we believe in good faith that there is an emergency involving personal safety;
- Report suspected exploitation, inducement, abuse or other harm to minors to child-protection bodies, regulators or law enforcement.
All disclosures must follow legality, necessity and proportionality principles. Where reasonably practicable, we will review the legal validity of requests and limit those that are clearly excessive.
Child sexual exploitation content: mandatory reporting is not discretionary. We prohibit any sexualized content involving minors. We have internal detection and handling mechanisms for suspected child sexual abuse material (CSAM); where reporting is legally required, we will report to competent authorities or equivalent bodies in accordance with applicable law.
For high-risk signals of self-harm or suicide involving minors, our current response is to trigger human review and escalation and send regionally appropriate crisis resources to the user. However, human review is currently available only during working hours and is not staffed around the clock.
Because current age assurance uses only a one-time declaration at registration, the age determination itself does not rely on automated decision-making. Actions involving minors primarily arise from voluntary disclosures, reports and risk signals identified in content-safety reviews. The scope and process of human review are described in Section 8 of the Lomli Privacy Policy and Section 11.1 of the Lomli Terms of Service.
Automation boundary for account termination: Unlike content restrictions, we do not make account-termination decisions on a solely automated basis. Automated systems may impose only temporary restrictions, such as a temporary freeze or restriction on interactions; final account termination requires human confirmation. This boundary is consistent with Section 20 of the Lomli Privacy Policy and Section 11.1 of the Lomli Terms of Service. At the same time, automated classifications in content-safety review can take effect automatically, so content deemed high risk, including content potentially involving minors, may be hidden, downranked or restricted before human intervention.
If you believe an age-related action is incorrect, or your account is restricted or terminated because of age, you may request human review or appeal under Section 6.
Content flagged to address risks involving minors may contain sensitive personal information and may be accessed from mainland China by our review team located there. This is cross-jurisdictional access. Before launch, we will implement the necessary transfer mechanisms, impact assessments and supplementary safeguards, and provide further notice or obtain consent where required by applicable law.
10. Relationship with Other Rules
10.1 Lomli Terms of Service
The Lomli Terms of Service set out general eligibility, account responsibilities, prohibited conduct, payments and refunds, suspension and termination, limitations of liability and dispute resolution. This Policy's uniform global minimum age of 18, absence of a parental-consent exception, anti-circumvention requirements and age-assurance rules form part of eligibility for the Services.
Age-based account restrictions, freezing, suspension, termination, subscription cancellations or refunds are also subject to the Lomli Terms of Service, purchase-channel rules and the non-waivable consumer rights of the user's location. Both documents use “age assurance,” “age declaration,” “age estimation,” “age verification” and “human review” as defined in Section 1.2 of this Policy.
10.2 Lomli Privacy Policy
The Lomli Privacy Policy describes personal-information categories, sources, purposes, legal bases, sharing, international transfers, retention, security measures, automated decisions and user rights. This Policy focuses on age assurance and protection of minors.
Both documents should remain consistent about age-related data categories, recipients, suppliers, retention periods, handling of documents or selfies, biometric information, training or secondary uses, deletion of minors' data and limited anti-circumvention records. If actual processing differs from published text, we should promptly correct the process or text and provide necessary notice and remedies under applicable law.
10.3 Mandatory Law
This Policy does not restrict any rights that cannot be waived under applicable law. If it conflicts with mandatory legal requirements, those requirements prevail and the remaining provisions continue to apply.
11. Contact Us
To report a suspected minor's account, request deletion of a minor's data, seek human review or appeal an age decision, or ask about this Policy, contact us through these channels:
- Unified intake channel (confirmed arrangement): Customer-support email is the common intake channel for general inquiries, privacy and data-rights requests, legal notices, and reports and appeals under this Policy. The address is lomli-service@outlook.com, published in the app, on the website and in this Policy.
- In-app reporting form (confirmed): An in-app form is available for reports of suspected minors' accounts, prohibited content and safety incidents, alongside the email channel.
- Operator: HYPERGAME TECHNOLOGY LIMITED (place of incorporation: Hong Kong, China).
- Postal address (registered address; the English version prevails): UNIT B604W ON 6/F., BLK B, CHUNG MEI CENTRE, 15 HING YIP STREET, KWUN TONG HONG KONG (the Chinese rendering is for reference only; the English registered address prevails).
- Service of written notices: We primarily receive notices and requests electronically, through the customer-support email above. If you need to serve legal documents by post, you may request a postal address that accepts legal service through that email.
About intake channels: Reports and appeals are accepted through the common email address and in-app form above. We will ensure a usable reporting route for parents and guardians and establish separate classification, assignment and deadline tracking for these reports and appeals in our support system.
If you believe there is an imminent risk to personal safety, immediately contact local emergency services, law enforcement or an appropriate child-protection body. Do not rely solely on Lomli's ordinary support channels. Our human review is currently available only during working hours; escalations outside those hours may be delayed.
12. Changes to This Policy
We may revise this Policy in response to changes in laws, regulations, regulatory guidance, service features, age-assurance methods, supplier arrangements or safety practices.
If a change significantly affects user rights, the age threshold, age-assurance methods or personal-information processing, we will give prominent notice before it takes effect through in-app messages, email, website announcements or other appropriate means and state its effective date. Where separate consent is required, we will comply with that requirement.
The updated Policy applies from its stated effective date. Your eligibility to continue using the Services remains subject to meeting the uniform global minimum age of 18 and all other applicable conditions. We recommend reviewing this Policy periodically.